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RI5r.-77.1VED <br />MAY 0 7 2.003 <br />HEALTH <br />Business Address: <br />6333 Pact ic Ave # 2ft6 PERMII/SERVICES <br />Stockton, CA 95207 <br />345 Donegal Way <br />Martinez, CA 94553 <br />Phone: 209-601-7048 <br />925-932-3691 <br />Fax: 925-932-8634 <br />E-Mail:TRECONSULTING@althL <br />TRE Consulting <br />General, Industrial, Real Estate, Ports, Airports, and Educational Environmental Consulting <br />Transmitted Via Facsimile 209-464-0138 and US Mail <br />Mr. Mike Infurna, REHS <br />Registered Environmental Health Specialist <br />San Joaquin County Environmental health Department <br />304 W. Weber Street <br />Stockton, CA <br />5/6/2003 <br />RE: Groundwater Monitoring Well Condition, Repair, and Redevelopment, <br />Metropolitan Stevedore Company Parcels I, II, Ill, Port of Stockton, <br />California. <br />Dear Mike: <br />Transpo-Environmental (TRE) Consulting is pleased to submit the <br />enclosed monitoring well condition, repair and redevelopment report for the <br />above-referenced monitoring wells to your attention. These four monitoring wells <br />are located at Metropolitan Stevedore Company's (MSC) leased property, <br />situated at the Port of Stockton, Stockton, CA. <br />Upon field inspections, repair, and reconditioning of all four wells, they are <br />currently in serviceable condition and have been redeveloped by TRE's field <br />contractor Blaine Tech of Sacramento, CA, as detailed in the enclosed report. All <br />project activities have been conducted under the direct field and technical <br />supervision of TRE's geologist, Mr. Chris Palmer, R.G., CEG, CHG. <br />As discussed earlier, prior to properly closing these monitoring wells in <br />place, as was requested by the San Joaquin County Environmental Health <br />Department (EHD), on behalf of MSC as a "cooperating party", TRE shall submit <br />a brief sampling and analysis plan (SAP) to the EHD and the Central Valley <br />Regional Water Quality Control Board (CVRWQCB) prior to implementing it in <br />the field. On behalf of MSC, we, however, believe that it is important to point out <br />that MSC's SAP shall only focus on the constituents of concern (COC) that were <br />associated with the industrial activities that were conducted on site by MSC. <br />Furthermore, MSC is engaging in this sampling and analysis exercise in order to <br />show its good faith effort as a cooperating party. As such, TRE shall also submit <br />a well destruction permit to your attention so it can proceed with the proper